the State of Texas // Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC v. Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC // Cross-Appellee, the State of Texas
This text of the State of Texas // Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC v. Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC // Cross-Appellee, the State of Texas (the State of Texas // Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC v. Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC // Cross-Appellee, the State of Texas) is published on Counsel Stack Legal Research, covering Court of Appeals of Texas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Opinion
ACCEPTED 15-25-00117-CV FIFTEENTH COURT OF APPEALS AUSTIN, TEXAS 8/6/2025 5:00 PM No. 15-25-00117-CV CHRISTOPHER A. PRINE CLERK The State of Texas, § FILED IN Appellant/Cross-Appellee, § 15th COURT OF APPEALS § AUSTIN, TEXAS In the Court of Appeals Vs. § 8/6/2025 5:00:08 PM § CHRISTOPHER A. PRINE § State of Texas Clerk Patrick Cox, for himself and as agent § For AOC Ranches, LLC, Team § Advertising Services, Inc., CCLHR § 15th Judicial District Enterprises, LLC, and VPizza § Restaurant 001, LLC, § Appellees/Cross-Appellants §
APPELLEES/CROSS-APPELLANTS’ UNOPPOSED MOTION TO EXTEND TIME TO FILE CROSS-APPELLANTS’ BRIEF
NOW COMES, Appellees/Cross-Appellants Patrick Cox, for himself and as agent for
AOC Ranches, LLC, Team Advertising Services, Inc., CCLHR Enterprises, LLC, and VPizza
Restaurant 001, LLC (“Patrick Cox” or “Appellees/Cross-Appellants”), and files this unopposed
motion to extend time to file Cross-Appellants’ Brief. In support of said Motion, Appellees/Cross
Appellants would show the Court as follows:
Counsel for Patrick Cox has conferred with counsel for the State of Texas, and the State of
Texas does not oppose this motion for extension.
On June 30, 2025, the State of Texas filed an accelerated appeal of the state court’s Order
Granting in Part and Denying in Part Texas’ Plea to the Jurisdiction and Motion for Summary
Judgment. On July 3, 2025, Patrick Cox filed a cross-appeal. On July 22, 2025, the State of Texas filed an Unopposed Motion for Extension of Time to
File Appellant’s Brief. Appellees/Cross-Appellants agreed to extend the deadline to August 27,
2025.
Appellees/Cross-Appellants intended to file a motion to request an extension of their
deadline to August 27, 2025, but have not yet done so. Having conferred with opposing counsel,
the State of Texas is not opposed to this motion.
WHEREFORE, Appellees/Cross-Appellants respectfully request this Court extend the
deadline to file an appeal brief to August 27, 2025, and further requests this Court grant any and
all other relief to which Appellees/Cross-Appellants may be entitled.
Dated: August 6, 2025
Respectfully submitted,
/s/ Reese W. Baker Reese W. Baker TX Bar No. 1587700 Baker & Associates 950 Echo Lane, Suite 300 Houston, TX 77024 Phone: (713) 869-9200 Fax: (713) 869-9100 Email: courtdocs@bakerassociates.net ATTORNEY FOR THE APPELLEES/ CROSS-APPELLANTS CERTIFICATE OF SERVICE
I hereby certify that on or about August 6, 2025, a true and correct copy of the foregoing
document was served upon all parties of notice via email and electronic service.
/s/ Reese W. Baker Reese W. Baker Automated Certificate of eService This automated certificate of service was created by the efiling system. The filer served this document via email generated by the efiling system on the date and to the persons listed below. The rules governing certificates of service have not changed. Filers must still provide a certificate of service that complies with all applicable rules.
Reese Baker on behalf of Reese Baker Bar No. 1587700 courtdocs@bakerassociates.net Envelope ID: 104067548 Filing Code Description: Motion Filing Description: Cox Unopposed Motion to Extend time to File CrossAppellant Brief 20250806 Status as of 8/7/2025 7:08 AM CST
Associated Case Party: Patrick Cox
Name BarNumber Email TimestampSubmitted Status
Reese Baker 1587700 courtdocs@bakerassociates.net 8/6/2025 5:00:08 PM SENT
Associated Case Party: The State of Texas
Ali Thorburn ali.thorburn@oag.texas.gov 8/6/2025 5:00:08 PM SENT
Jacob Beach jacob.beach@oag.texas.gov 8/6/2025 5:00:08 PM SENT
Amanda Ruch amanda.ruch@oag.texas.gov 8/6/2025 5:00:08 PM SENT
Case Contacts
Ariana Ines ariana.ines@oag.texas.gov 8/6/2025 5:00:08 PM SENT
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the State of Texas // Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC v. Patrick Cox, for Himself and as Agent for AOC Ranches, LLC; Team Advertising Services, Inc.; CCLHR Enterprises, LLC; And VPizza Restaurant 001, LLC // Cross-Appellee, the State of Texas, Counsel Stack Legal Research, https://law.counselstack.com/opinion/the-state-of-texas-patrick-cox-for-himself-and-as-agent-for-aoc-texapp-2025.